Progress Update: Permit Integrity Team Waste Analysis...
Transcript of Progress Update: Permit Integrity Team Waste Analysis...
Progress Update:
Permit Integrity Team
Waste Analysis Plans and
Land Disposal Restriction
Compliance
Todd Ramaly
Christopher Lambesis
U.S. EPA Region 5
Land and Chemicals Branch
August 13, 2019
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Big Picture
• LDR Failures: 10 of 14 (71%) TSDF inspection sample sets had
LDR failure rates ranging from 2.6% to 84%.
• Review of RCRA TSDF’s WAPs shows: 1) lack of detail and
justification; and 2) the need for continued attention to this core
element of the base program.
• First comprehensive review of LDR WAP provisions since 1986.
• Infrequent, inadequate or ineffective monitoring of a facility’s
LDR compliance could result in land disposal of significant
volumes of waste that do not meet LDRs.
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Overview of LDR Program
The purpose of the LDR program is to minimize short and long-term
threats to human health and the environment by reducing the toxicity or
mobility of hazardous constituents before they are land disposed by:
• Prohibiting hazardous wastes from land disposal unless meeting established
treatment standards.
• Specifying treatment standards by concentration or a treatment method.
• Attaching LDR at the point of generation, not the point of disposal.
Generally, listed wastes meeting LDRs must be disposed in a Subtitle C landfill
while characteristic wastes meeting LDRs can be disposed in a non-hazardous
waste landfill.
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TCLP Cadmium (mg/L) Bins Ending in Concentration
Frequency of TCLP Cadmium Concentrations - BDAT (based on HTMR)
Mean (log transformed) = 0.017
LDR = 0.11 (99th percentile)
Raw Mean = 0.025
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How were LDR Standards Set?
“As a practical matter, facilities will have to be designed to meet an average level of performance that is more stringent than the standard in order to ensure continuous compliance with the standard.”
- Page 31 of the December 1988 Methodology for Developing BDAT
WAPs and LDRs
• The WAP provides the basis for monitoring how a facility meets the requirements
of the LDR program.
• The WAP regulations (40 CFR 264/5.13) state that before an owner or operator
treats, stores, or disposes of any hazardous wastes, a detailed chemical and
physical analysis of a representative sample of the waste must be obtained and at
a minimum, the analysis must contain all the information which must be known to
treat, store or dispose of the waste.
• The LDR regulations (40 CFR 268.7) state (in part) that facilities that treat and/or
land dispose must test the wastes or treatment residues according to the
frequency specified in their WAP to assure they are meeting the LDR standards.
• EPA guidance emphasizes that testing for LDR compliance must be detailed in the
WAP to the satisfaction of the Permit Writer on a case-by-case basis.
• Treatment and disposal facilities must conduct periodic detailed physical and
chemical waste analysis to assure that LDRs are met on a justified and specified
frequency. Guidance states frequency be at least annually.
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Well-Designed Treatment and Sampling
Well-Designed Treatment System
• LDR treatment standards were established to be achievable 99% of the time and no portion of
the waste exceeding the standard (i.e. any grab sample must pass).
• A Well-Designed and Well-Operated stabilization process includes: waste segregation, size
reduction, homogenous mixture, proper mixing, reagents, waste-to-reagent ratios, treatment
inhibitors/interferences, and cure time.
• Post-Treatment Testing frequency should consider the design and operation of the treatment
process.
Type of Post-Treatment Sampling
• 40 CFR 268.40 and 268.48 state that compliance is measured by an analysis of grab samples.
• Grab sampling ensures conformity with LDR program goals.
• While enforcement can be based on a single grab sample, a variable wastestream or one with
concentrations close to the standard may need more comprehensive sampling (such as
multiple grabs) to ensure compliance on a day to basis as part of the permit.
• WAPs may authorize a different sampling strategy if statistical equivalence to grab sampling is
demonstrated.
• A facility can be in compliance with WAP but not LDRs.
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WAP LDR Team Background
• In 2018, the RCRA Permit Integrity Team (PIT) identified as a
priority issue the review and possible improvement of Waste
Analysis Plans (WAPs) in ensuring LDR treatment compliance.
• As a result, the WAP-LDR Team was formed with representatives
from ORCR, OECA-HQ, NEIC, EPA Regional Offices and State
Agencies.
• The Team collected WAPs from 57 TSDFs that either stabilize or
dispose of metal-bearing hazardous waste. The Team also
reviewed numerous LDR Federal Registers and guidance
documents on WAPs and LDR compliance.
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Team Findings - Elements of Well-Designed
and Operated Treatment System
• Only 44% identified the
treatment reagents used.
• Only 35% reported how
waste was stored after
treatment.
• Only 21% reported the
mixing method, mixing
time or achieving
homogeneity.
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Team Findings – TSDF WAP Testing Frequency
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Every Batch Tested 40%
WAP Missing Specified
Frequency (Incomplete)
11%
Not Every Batch Tested 49%
Team Findings – TSDF WAP Sampling Types
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79% Have Biased Sampling.
21% Have Random Sampling.
Single-Grab Sampling 58%
Composite Sampling 30%
Multiple-Grab Sampling 9%
Unspecified (Incomplete
WAP) 3%
WAPs and LDR Compliance
• LDR Failures: 10 of 14 (71%) of TSDF inspection
sample sets had LDR failure rates ranging from 2.6%
to 84% of treated batches.
• 88% Facility Failure Rate when WAPs do not require
sampling every batch.
• 50% Facility Failure Rate when WAPs require
sampling every batch.
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TCLP Cadmium (mg/L) Logarithmic Scale Labeled with Transformed Data (Bins Ending in Displayed Concentration)
Aiming at the BDAT Instead of at the LDR Standard
LDR
0.110.025
“As a practical matter, facilities will have to be designed to meet an average level of performance that is more stringent than the standard in order to ensure continuous compliance with the standard.”
- Page 31 of the December 1988 Methodology for Developing BDAT
Next Steps• Continue further study of data and seek additional information,
including potentially more sampling and analysis.
• Share review with WAP-LDR team members and present analysis
to the ASTSWMO, States, regulated community, others for their
input.
• Consider developing tools to improve WAPs to ensure LDR
compliance that can be used across the country.– Collaboration of diverse expertise
– Promotes a level playing field
• Examples of possible tools:– Spreadsheet of WAP required elements by waste code
– Statistical Guidance on LDR sampling
– WAP Checklists
– Others? 13
LDR Phase IV BDAT Descriptions, Mean Treatment Concentrations, and
LDR Universal Treatment Standards
Constituent
Mean of BDAT
Treatment (mg/L
TCLP)
Variability Factor
of BDAT
Treatment
UTS
(mg/L TCLP)
Number of
ObservationsTechnology
Document Number in LDR Phase IV
Rule Docket
(regulations.gov)
Antimony 0.21 5.60 1.15 50 Stabilization EPA-HQ-RCRA-1998-0003-0115
Arsenic 5.0
Barium 2.6 8.04 21.0 12 Stabilization March 10, 1997 Memorandum
Beryllium 0.19 6.47 1.22 7 Stabilization EPA-HQ-RCRA-1998-0003-0108
Cadmium 0.025 4.32 0.11 38 HTMR EPA-HQ-RCRA-1998-0003-0107
Chromium 0.10 6.02 0.60 38 HTMR EPA-HQ-RCRA-1998-0003-0107
Lead 0.12 6.28 0.75 27 Stabilization March 10, 1997 Memorandum
Mercury 0.0043 5.47 0.025 Acid Leaching EPA-HQ-RCRA-1998-0003-0151
Nickel 2.9 3.72 11.0 117 HTMR EPA-HQ-RCRA-1998-0003-0107
Selenium 5.7
Silver 0.032 4.32 0.14 111 HTMR EPA-HQ-RCRA-1998-0003-0107
Thallium 0.092 2.19 0.20 15 Stabilization March 10, 1997 Memorandum
Vanadium 0.57 2.8 1.6 1 Stabilization March 10, 1997 Memorandum
Zinc 0.35 12.2 4.3 6 Stabilization March 10, 1997 Memorandum
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Example Compliance Tool
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Todd Ramaly
312-353-9317
Christopher Lambesis
312-886-3583